99-19347. Consolidated Returns, Limitations on the Use of Certain Losses and Deductions; Correction  

  • [Federal Register Volume 64, Number 147 (Monday, August 2, 1999)]
    [Rules and Regulations]
    [Pages 41783-41784]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 99-19347]
    
    
    =======================================================================
    -----------------------------------------------------------------------
    
    DEPARTMENT OF THE TREASURY
    
    Internal Revenue Service
    
    26 CFR Parts 1, 301, and 602
    
    [TD 8823]
    RIN 1545-AU31
    
    
    Consolidated Returns, Limitations on the Use of Certain Losses 
    and Deductions; Correction
    
    AGENCY: Internal Revenue Service (IRS), Treasury.
    
    ACTION: Correction to final regulations.
    
    -----------------------------------------------------------------------
    
    SUMMARY: This document contains corrections to final regulations which 
    were published in the Federal Register on Friday, July 2, 1999, (64 FR 
    36092), relating to consolidated returns and
    
    [[Page 41784]]
    
    limitations on the use of certain losses and deductions.
    
    DATES: This correction is effective July 2, 1999.
    
    FOR FURTHER INFORMATION CONTACT: Jeffrey L. Vogel or Marie Milnes-
    Vasquez at (202) 622-7770 (not a toll-free number).
    
    SUPPLEMENTARY INFORMATION:
    
    Background
    
        The final regulations that are subject to these corrections are 
    under section 1502 of the Internal Revenue Code.
    
    Need for Correction
    
        As published, final regulations (TD 8823) contains errors that may 
    prove to be misleading and are in need of clarification.
    
    Correction of Publication
    
        Accordingly, the publication of the final regulations (TD 8823), 
    which were the subject of FR Doc. 99-16161, is corrected as follows:
        1. On page 36095, column 3, in the preamble under the heading, 
    Built-in Losses, line 2 from the bottom of the paragraph, the language 
    ``latter or the SRLY event or section 382'' is corrected to read 
    ``latter of the SRLY event or section 382''.
    
    
    Sec. 1.1502-15  [Corrected]
    
        2. On page 36103, column 1, Sec. 1.1502-15(d), paragraph (i) of 
    Example 3., line 3, the language ``M are each common parents of a'' is 
    corrected to read ``M are each the common parent of a''.
        3. On page 36103, column 3, Sec. 1.1502-15(d), paragraph (vii) of 
    Example 4., lines 6 and 7, the language ``determining the SRLY 
    limitation for these additional losses in Year 4 (or any'' is corrected 
    to read ``determining the SRLY limitation for this additional loss in 
    Year 4 (or any''.
        4 & 5. On page 36104, column 3, Sec. 1.1502-15, paragraphs 
    (g)(4)(i) and (g)(4)(ii) are corrected to read as follows:
    
    
    Sec. 1.1502-15  SRLY limitation on built-in losses.
    
    * * * * *
        (g) * * *
        (4) * * *
        (i) All members of the SRLY subgroup with respect to those built-in 
    losses are also included in a loss subgroup (as defined in Sec. 1.1502-
    91(d)(2)); and
        (ii) All members of a loss subgroup (as defined in Sec. 1.1502-
    91(d)(2)) are also members of a SRLY subgroup with respect to those 
    built-in losses.
    * * * * *
        6. On page 36105, column 1, Sec. 1.1502-15(g)(6), paragraph (v) of 
    Example 1., the last line in the paragraph, the language ``and the 
    application of the section 382.'' is corrected to read ``and the 
    application of section 382.''.
        7. On page 36105, column 1, Sec. 1.1502-15(g)(6), paragraph (ix) of 
    Example 1., the last line in the paragraph, the language ``recognized 
    with the recognition period.'' is corrected to read ``recognized within 
    the recognition period.''.
    
    
    Sec. 1.1502-21  [Corrected]
    
        8. On page 36109, column 2, Sec. 1.1502-21(c)(2), line 13 from the 
    bottom of the introductory text, the language ``(the former group), or 
    for a carryover'' is corrected to read ``(the former group), whether or 
    not the group is a consolidated group, or for a carryover''.
        9. On page 36110, column 1, Sec. 1.1502-21(c)(2)(viii), paragraph 
    (i) of Example 1., lines 2 and 3, the language ``S, T and M. P and M 
    are each common parents of a consolidated group. During Year'' is 
    corrected to read ``S, T, and M. P and M are each the common parent of 
    a consolidated group. During Year''.
        10. On page 36110, column 3, Sec. 1.1502-21(c)(2)(viii), paragraph 
    (i) of Example 2., lines 2 and 3, the language ``of the stock of S, T, 
    P and M. P and M are each common parents of a consolidated'' is 
    corrected to read ``of the stock of S, T, P, and M. P and M are each 
    the common parent of a consolidated''.
        11. On page 36111, column 1, Sec. 1.1502-21(c)(2)(viii), paragraph 
    (i) of Example 3., lines 2 and 3, the language ``the stock of S, T, P 
    and M. S, P and M are each common parents of a consolidated'' is 
    corrected to read ``the stock of S, T, P, and M. S, P, and M are each 
    the common parent of a consolidated''.
        12. On page 36112, column 3, Sec. 1.1502-21(g)(5), paragraph (i) of 
    Example 4., line 3, the language ``for 6 years. For Year 6, T has an 
    net operating'' is corrected to read ``for 6 years. For Year 6, T has a 
    net operating''.
        13. On page 36112, column 3, Sec. 1.1502-21(g)(5), paragraph (i) of 
    Example 5., line 5, the language ``unrelated to A, owns all of the 
    stock of P, the'' is corrected to read ``unrelated to Individual A, 
    owns all of the stock of P, the''.
        14. On page 36113, column 3, Sec. 1.1502-21(g)(5), paragraph (i) of 
    Example 9., line 11, the language ``Individual A. On January 1 of Year 
    3, M'' is corrected to read ``Individual A. On December 31 of Year 2, 
    M''.
        15. On page 36113, column 3, Sec. 1.1502-21(g)(5), paragraph (iii) 
    of Example 9., lines 1 through 3, the language ``M's January 1 purchase 
    of 51% of P is a section 382 event because it results in an ownership 
    change of S and T that gives rise'' is corrected to read ``M's December 
    31 purchase of 51% of P is a section 382 event because it results in an 
    ownership change of the S loss subgroup that gives rise''.
        16. On page 36113, column 3, Sec. 1.1502-21(g)(5), paragraph (v) of 
    Example 9., lines 1 through 3, the language ``Because the SRLY event 
    and the change date of the section 382 event occur on the same date and 
    the SRLY subgroup and loss'' is corrected to read ``Because the SRLY 
    event occurred within six months of the change date of the section 382 
    event and the SRLY subgroup and loss''.
    
    
    Sec. 1.1502-23  [Corrected]
    
        17. On page 36116, column 1, Sec. 1.1502-23(d)(1), second line from 
    the bottom of the paragraph, the language ``consolidated return is 
    taxable years is'' is corrected to read ``consolidated return is''.
    
    Cynthia E. Grigsby, Chief, Regulations Unit, Assistant Chief 
    Counsel (Corporate).
    
    [FR Doc. 99-19347 Filed 7-30-99; 8:45 am]
    BILLING CODE 4830-01-U
    
    
    

Document Information

Effective Date:
7/2/1999
Published:
08/02/1999
Department:
Internal Revenue Service
Entry Type:
Rule
Action:
Correction to final regulations.
Document Number:
99-19347
Dates:
This correction is effective July 2, 1999.
Pages:
41783-41784 (2 pages)
Docket Numbers:
TD 8823
RINs:
1545-AU31
PDF File:
99-19347.pdf